SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF YOLO. Dept.1

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1 2 3 4 5 JEFF W. REISIG DISTRICT ATTORNEY OF YOLO COUNTY By: Garrett Hamilton/173423 Supervising Deputy District Attorney 301 Second Street Woodland, California 95695 Telephone: (530) 666-8180 Entry No.: 229021 Attorney for People 6 7 8 9 SUPERIOR COURT OF THE STATE OF CALIFORNIA COUNTY OF YOLO 10 11 THE PEOPLE OF THE STATE OF CALIFORNIA, 12 13 Plaintiff, 14 vs. 15 JUSTIN MATTHEW GONZALEZ, 16 VANESSA LYNETTE RAMOS, 17 ALEXIS IVAN VELAZQUEZ, 18 CYNTHIA MARIA TELLO 19 Defendants Dept.1 COMPLAINT 20 21 I, the undersigned, say, on information and belief, that in 22 the County of Yolo, State of California: 23 Count 1 : On or about August 30, 2016, ALEXIS IVAN 24 VELAZQUEZ and CYNTHIA MARIA TELLO and JUSTIN MATTHEW GONZALEZ 25 and VANESSA LYNETTE RAMOS did commit a FELONY, namely, a 26 violation of Section 187(a) of the California Penal Code, 27 MURDER, in that ALEXIS IVAN VELAZQUEZ and CYNTHIA MARIA TELLO 28 and JUSTIN MATTHEW GONZALEZ and VANESSA LYNETTE RAMOS did COMPLAINT - 1

1 willfully and unlawfully kill a human being, to wit, Antonio 2 Fontanilla, with malice aforethought. 3 Count Enhancement 1a : It is further alleged that during 4 the commission or attempted commission of the felony charged 5 above, ALEXIS IVAN VELAZQUEZ did willfully, unlawfully, and 6 personally use a deadly or dangerous weapon, within the meaning 7 of Section 12022(b) (1) of the California Penal Code, USE OF 8 DEADLY WEAPON. 9 Count Enhancement 1b : It is further alleged that at the 10 time of the commission of offense charged in this count, ALEXIS 11 IVAN VELAZQUEZ and CYNTHIA MARIA TELLO and JUSTIN MATTHEW 12 GONZALEZ and VANESSA LYNETTE RAMOS committed the above felony 13 for the benefit of, at the direction of, or in association with 14 any criminal street gang, with the specific intent to promote, 15 further, or assist in any criminal conduct by gang members, and 16 is subject to the enhancement within the meaning of Section 17 186.22(b) (1) of the California Penal Code, ENHANCEMENT FOR 18 CRIMINAL STREET GANG ACTIVITY. 19 Count Enhancement 1c : It is also alleged that ALEXIS IVAN 20 VELAZQUEZ and JUSTIN MATTHEW GONZALEZ is subject to a SPECIAL 21 CIRCUMSTANCE within the meaning of Section 190.2(a) (22) of the 22 California Penal Code in that ALEXIS IVAN VELAZQUEZ and JUSTIN 23 MATTHEW GONZALEZ intentionally killed the victim while ALEXIS 24 IVAN VELAZQUEZ and JUSTIN MATTHEW GONZALEZ was an active 25 participant in a criminal street gang, as defined in subdivision 26 (f) of Section 186.22, and the murder was carried out to further 27 the activities of the criminal street gang. 28 COMPLAINT - 2

1 Count 2 : On or about August 30, 2016, ALEXIS IVAN 2 VELAZQUEZ and CYNTHIA MARIA TELLO and JUSTIN MATTHEW GONZALEZ 3 and VANESSA LYNETTE RAMOS did commit a FELONY, namely, a 4 violation of Section 186.22(a) of the California Penal Code, 5 CRIMINAL STREET GANG ACTIVITY, in that ALEXIS IVAN VELAZQUEZ and 6 CYNTHIA MARIA TELLO and JUSTIN MATTHEW GONZALEZ and VANESSA 7 LYNETTE RAMOS did willfully and unlawfully actively participate 8 in any criminal street gang with knowledge that the members of 9 that street gang engage in and have engaged in a pattern of 10 street gang activity, and ALEXIS IVAN VELAZQUEZ and CYNTHIA 11 MARIA TELLO and JUSTIN MATTHEW GONZALEZ and VANESSA LYNETTE 12 RAMOS did willfully and unlawfully promote, further, and assist 13 in any felonious criminal conduct by members of that gang. 14 Case Enhancement a : It is further alleged that ALEXIS IVAN 15 VELAZQUEZ was previously convicted of a serious felony within 16 the meaning of Section 667(c) and 667(e) (1) of the California 17 Penal Code, ENHANCEMENT FOR ONE PRIOR FELONY CONVICTION THAT 18 PROHIBITS PROBATION, LIMITS CREDITS, REQUIRES CONSECUTIVE 19 SENTENCING, AND MANDATES PRISON COMMITMENT, in that ALEXIS IVAN 20 VELAZQUEZ was convicted of a prior felony as defined in Section 21 667(d) of the California Penal Code, and listed in Sections 22 667.5(c) and 1192.7(a) of the Penal Code, and Section 707(b) of 23 the Welfare and Institutions Code, to wit, a sustained petition 24 in juvenile court on June 30th, 2015 for a violation of Section 25 245(a) (4) of the California Penal Code, in the County of Yolo. 26 Case Enhancement b : It is further alleged that JUSTIN 27 MATTHEW GONZALEZ was previously convicted of a serious felony 28 within the meaning of Section 667(e) (2) of the California Penal COMPLAINT - 3

1 Code, ENHANCEMENT FOR TWO OR MORE PRIOR CONVICTIONS FOR SERIOUS 2 FELONIES, in that JUSTIN MATTHEW GONZALEZ was convicted of two 3 or more prior felonies as defined in Section 667(d) of the 4 California Penal Code, and listed in Sections 667.5(c), 5 1192.7(c) of the Penal Code, or Section 707(b) of the Welfare 6 and Institutions Code as listed below: 1. Conviction One was 7 on February 26th, 2015, for a violation of Section 186.22(a)/245 8 of the California Penal Code, in the County of Kern. 2. 9 Conviction Two was on June 19th, 2013, for a violation of Penal 10 Code Section 186.22(a) of the California Penal Code, in the 11 County of Yolo. 12 Case Enhancement c : It is further alleged that JUSTIN 13 MATTHEW GONZALEZ was previously convicted of a serious felony 14 within the meaning of Section 667(a) (1) of the California Penal 15 Code, ENHANCEMENT FOR HABITUAL CRIMINALS, in that JUSTIN MATTHEW 16 GONZALEZ was convicted of a serious felony listed in Section 17 1192.7 of the Penal Code, to wit, Section 186.22(a) of the 18 California Penal Code, on June 19th, 2013 in the County of Yolo. 19 Case Enhancement d : It is further alleged that JUSTIN 20 MATTHEW GONZALEZ was previously convicted of a serious felony 21 within the meaning of Section 667(a) (1) of the California Penal 22 Code, ENHANCEMENT FOR HABITUAL CRIMINALS, in that JUSTIN MATTHEW 23 GONZALEZ was convicted of a serious felony listed in Section 24 1192.7 of the Penal Code, to wit, Section 186.22(a) of the 25 California Penal Code, on February 26th, 2015 in the County of 26 Kern. 27 Case Enhancement e : It is further alleged that JUSTIN 28 MATTHEW GONZALEZ was previously convicted of a felony within the COMPLAINT - 4

1 meaning of Section 667.5(b) of the California Penal Code, 2 ENHANCEMENT FOR PRIOR PRISON TERM, in that JUSTIN MATTHEW 3 GONZALEZ was convicted of a felony on February 26th, 2015 in the 4 County of Kern, and that JUSTIN MATTHEW GONZALEZ served a prison 5 term for such conviction and that JUSTIN MATTHEW GONZALEZ has 6 not remained free of prison custody or free of a felony 7 conviction for five years, within the meaning of Section 667.5 8 of the Penal Code. 9 Case Enhancement f : It is further alleged that JUSTIN 10 MATTHEW GONZA:~EZ was previously convicted of a felony within the 11 meaning of Section 667.5(b) of the California Penal Code, 12 ENHANCEMENT FOR PRIOR PRISON TERM, in that JUSTIN MATTHEW 13 GONZALEZ was convicted of a felony on June 19th, 2013 in the 14 County of Yolo, and that JUSTIN MATTHEW GONZALEZ served a prison 15 term for such conviction and that JUSTIN MATTHEW GONZALEZ has 16 not remained free of prison custody or free of a felony 17 conviction for five years, within the meaning of Section 667.5 18 of the Penal Code. 19 I declare under penalty of perjury that the foregoing is 20 correct. 21 Executed on September 2, 2016, at Woodland, California. 22 23 24 Garrett Hamilton/173423 Supervising Deputy District Attorney 25 26 27 28 COMPLAINT - 5